Regulatory Filings • Jan 11, 2017
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January 11, 2017
Lyn Shenk
Branch Chief
Office of Transportation and Leisure
Division of Corporate Finance
U.S. Securities & Exchange Commission
100 F Street, NE
Washington, D.C. 20549
RE: Churchill Downs Incorporated
Form 10-K for Fiscal Year Ended December 31, 2015
Filed February 24, 2016
File No. 001-33998
Dear Ms. Shenk,
We are in receipt of the letter, dated December 19, 2016, from the staff (the Staff) of the United States Securities and Exchange Commission (the Commission) with respect to the above-referenced filing by Churchill Downs Incorporated (the Company). We are responding to the Staffs comments as set forth below. For ease of reference, we have also set forth the text of each of the Staffs comments prior to our response.
Form 10-K for Fiscal Year Ended December 31, 2015
Managements Discussion and Analysis
Additional Statistical Data by Segment
Big Fish Games, page 48
Response: To provide investors with additional information about our financial results, the Company has historically disclosed bookings as a non-GAAP financial measure. Bookings represent the amount of virtual currency, virtual goods, or premium games that consumers have purchased through third party app stores or the Big Fish Games website. The Company records the sale of virtual goods as deferred revenue and then recognizes that revenue as the virtual goods are consumed or over the estimated average user life. The Company uses bookings as an operational metric to evaluate how a game is performing and our customer purchasing trends, and to determine the amount of marketing dollars to spend on a game. Our investors also monitor this operational metric to track how our games are performing and to identify growth trends.
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We acknowledge the Staffs comment. The Company will no longer present the measure bookings as a non-GAAP measure. The Company will include bookings as an operational metric in all prospective filings beginning with our annual report on Form 10-K for the year ended December 31, 2016.
Item 7. Managements Discussion and Analysis of Financial Condition and Results of Operations
Reconciliation of segment Adjusted EBITDA to Comprehensive Income, page 53
Response: We acknowledge the Staffs comment and will revise this label from total segment adjusted EBITDA to adjusted EBITDA in all prospective filings beginning with our annual report on Form 10-K for the year ended December 31, 2016.
Response: We acknowledge the Staffs comment and will revise our reconciliation to begin with the GAAP measure and reconcile to the non-GAAP measure in all prospective filings beginning with our annual report on Form 10-K for the year ended December 31, 2016.
Response: We acknowledge the Staffs comment and the Company will no longer include the change in Big Fish Games deferred revenue in our non-GAAP measures of financial performance in all prospective filings beginning with our annual report on Form 10-K for the year ended December 31, 2016.
Liquidity and Capital Resources, page 55
Response: The Company defines capital project expenditures as fixed asset additions related to land or building improvements to new or existing assets and purchases of new (non-replacement) equipment or software related to specific projects. Capital project expenditures exclude maintenance-related capital expenditures which are expenditures to replace existing fixed assets with a useful life greater than one year that are obsolete, exhausted, or no longer cost effective to repair.
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The Company has historically provided free cash flow defined as operating cash flow minus maintenance capital as a non-GAAP measure that is used as an internal performance metric for compensation purposes and that is used by our investors to evaluate our performance and for valuation purposes.
We acknowledge the Staffs comment. The Company will no longer present free cash flow as a non-GAAP measure in the Liquidity and Capital Resources in all prospective filings beginning with our annual report on Form 10-K for the year ended December 31, 2016. The Company will disclose separately Capital project expenditures and Capital maintenance expenditures in the Consolidated Statements of Cash Flows and in Liquidity and Capital Resources and will add the following disclosure in Liquidity and Capital Resources in all prospective filings beginning with our annual report on Form 10-K for the year ended December 31, 2016:
Capital project expenditures represent fixed asset additions related to land or building improvements to new or existing assets or purchases of new (non-replacement) equipment or software related to specific projects deemed discretionary expenditures.
If you have any questions regarding the foregoing responses or otherwise, please do not hesitate to call me at (502) 636-4837.
Sincerely,
/s/ Marcia A. Dall
Marcia A. Dall
Chief Financial Officer
cc: Theresa Brillant, Securities and Exchange Commission
Doug Jones, Securities and Exchange Commission
Carter Vance, Esq., Churchill Downs Incorporated
Chad Dobson, Churchill Downs Incorporated
John Kelsh, Esq., Sidley Austin LLP
Mark Rexroat, PricewaterhouseCoopers LLP
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